Admissibility of Documentation Maintained in Foreign Countries

Admissibility of Documentation Maintained in Foreign Countries

Admissibility of Documentation Maintained in Foreign Countries

In Legislation

Admissibility of Documentation Maintained in Foreign Countries in the U.S. Code: Title 26, Subtitle A, Chapter 1, Subchapter N, Part III, Subpart I

The current, permanent, in-force federal laws regulating admissibility of documentation maintained in foreign countries are compiled in the United States Code under Title 26, Subtitle A, Chapter 1, Subchapter N, Part III, Subpart I. It constitutes “prima facie” evidence of statutes relating to Income Taxes (including admissibility of documentation maintained in foreign countries) of the United States. The reader can further narrow his/her legal research of the general topic (in this case, Taxation and Tax Liability and Liability of the US Code, including admissibility of documentation maintained in foreign countries) by chapter and subchapter.


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